Cebe Farms, Ind. v. United States

103 Fed. Cl. 174, 2012 U.S. Claims LEXIS 37, 2012 WL 286874
CourtUnited States Court of Federal Claims
DecidedJanuary 31, 2012
DocketNo. 05-965 C
StatusPublished
Cited by1 cases

This text of 103 Fed. Cl. 174 (Cebe Farms, Ind. v. United States) is published on Counsel Stack Legal Research, covering United States Court of Federal Claims primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Cebe Farms, Ind. v. United States, 103 Fed. Cl. 174, 2012 U.S. Claims LEXIS 37, 2012 WL 286874 (uscfc 2012).

Opinion

[175]*175RULING ON DEFENDANT’S MOTION FOR JUDGMENT ON THE PLEADINGS WITH RESPECT TO PLAINTIFFS’ FIRST CAUSE OF ACTION

SWEENEY, Judge.

Plaintiffs seek damages for breach of contract or, alternatively, just compensation under the Fifth Amendment to the United States Constitution following the destruction by the United States Department of Agriculture (“USDA”) of their “uninfected genetically unique and irreplaceable breeder chickens and eggs as part of USDA’s effort to stop the spread of and eradicate Exotic Newcastle Disease [ (“END”) ] following an outbreak in Southern California” in 2002. Am. Compl. ¶ 1. The USDA, plaintiffs allege, failed to adequately compensate them for the destruction of three breeds of colored broiler chickens and eggs that are no longer extant. Id. ¶ 2. In a previous ruling, the court granted in part and denied in part defendant’s motion for judgment on the pleadings.1 Before the court is defendant’s second motion for judgment on the pleadings with respect to plaintiffs’ first cause of action — breach of contract to pay the appraised value of plaintiffs’ flock and eggs as indemnity. For the reasons set forth below, defendant’s motion is denied.

I. BACKGROUND

A. The Poultry Industry and Plaintiffs’ Niche Market

The poultry industry is dominated by large commercial producers and is generally divided into three separate components: broiler producers; egg producers; and breeders that provide great-grandparent, grandparent, and parent breeder stock to the broiler and egg producers. Id. ¶ 7. Beginning in the 1950s, the broiler and egg industry within the United States “intentionally bred the col- or out of chickens to produce the lines of white chickens and eggs typical in U.S. markets.” Id. ¶ 9. Due to a “dwindling supply of colored broilers and their breeders, colored broilers demand a much higher price in the market.” Id. ¶ 10.

Cebe Farms, Ind. (“Cebe Farms”), established by Joseph Cebe in 1981, is a small family farm located in California. Id. ¶2. Unlike large commercial producers, Cebe Farms, which consists of two breeder ranches and five broiler production ranches, vertically integrates the production of breeder stock, hatching of eggs, and production of broilers. Id. ¶¶ 6-7. For over twenty years, Cebe Farms held a dominant position in a niche market specializing in the breeding of colored broiler chickens possessing “unique qualities.”2 Id. ¶¶ 11-13. The great-grandparent chickens Cebe Farms bred for approximately thirty years were “the only descendants of lines of colored chickens that no longer exist anywhere in the world.” Id. ¶11.

B. END in Poultry

Poultry, like humans, are susceptible to various diseases. Velogenic Newcastle Disease, also known as END, is “the most severe form of Newcastle disease and ... the most serious disease affecting poultry in the world.” Id. ¶ 15. Chickens infected with END develop lesions in their brains or gastrointestinal tracts. Id. Once END is introduced into a flock, the disease spreads by the movement of apparently uninfected chickens, contaminated objects, or other animals. Id. ¶ 17. The common incubation period in chickens is between two and six days, and the first clinical signs of END exhibited in laying hens are a rapid decline in egg production and a high mortality rate. Id. ¶ 18. Within the first day after clinical signs of END are observed, between ten and fifteen percent of a flock may die, though most [176]*176infected chickens die suddenly and without any observable clinical symptoms. Id. Morbidity is near 100 percent, with mortality near ninety percent. Id. ¶ 15. Chickens that survive two weeks after an END outbreak will generally not die, though they typically exhibit permanent neurological damage, including paralysis. Id. ¶ 18.

Chickens can be vaccinated against END, though vaccination only reduces, rather than eliminates, the incidence of END in an exposed flock. Id. ¶ 19. Vaccination can also increase the difficulty of identifying END. Id. During an outbreak of END, dying chickens may be collected twice weekly for testing. Id. Alternatively, unvaccinated, uninfected “sentinel” chickens may be placed in a vaccinated flock and observed for disease and death. Id. A tentative diagnosis of END can be made in the field based upon history, clinical signs, and lesions. Id. ¶ 20. However, because END is similar to other diseases, including cholera and avian influenza, a final diagnosis requires isolation and identification of the virus itself. Id.

END is endemic in various regions of the world, including Asia, the Middle East, Africa, Central America, and South America. Id. ¶ 16. Several European countries are considered “free of END,” while END “is considered ‘exotic’ in the United States.” Id. The last major outbreak of END in this country occurred in Southern California in 1971. Id. ¶22. Outbreaks in the United States have been rare since 1973, after which time imported birds have been subject to strict quarantine. Id. ¶ 21.

C. 2002 Outbreak of END in Southern California

On October 1, 2002, an outbreak of END was confirmed in backyard poultry in Los Angeles and Riverside Counties in California. Id. ¶¶ 15, 22. The Secretary of Agriculture declared an “extraordinary emergency” on January 6, 2003, id. ¶22, and the USDA’s Animal and Plant Health Inspection Service (“APHIS”) established an Inland Desert Task Force to respond to and eradicate the END outbreak, id. ¶25. The USDA imposed a quarantine on Los Angeles, Riverside, and San Bernandino Counties, and it later extended the quarantine to a total of nine California counties and portions of Nevada, Arizona, and Texas. Id. ¶ 22.

1. The USDA Claims That Plaintiffs’ Flock and Eggs Were Infected With END

During the END outbreak, plaintiffs’ flock did not display any clinical signs of the disease, and there was no significant decline in egg production. Id. ¶ 24. The mortality rate in plaintiffs’ flock remained below normal levels, even for an uninfected flock. Id. Plaintiffs requested prophylactic and surveillance measures, including the use of “sentinel” chickens and testing of their great-grandparent eggs. Id. According to plaintiffs, their eggs “could have been safely saved without risk to the END eradication program, thereby preserving the unique breeder stock.” Id.; see also id. ¶ 47 (alleging that, regardless of whether the flock and eggs were infected with END, the eggs “could have been safely quarantined, cleaned, and hatched in the ordinary course of [plaintiffs’] breeding program”). The USDA, however, claimed that plaintiffs’ flock was infected. Id. ¶24. Despite plaintiffs’ repeated requests, the USDA never provided any evidence, such as laboratory test results, to substantiate its claim. Id. Nevertheless, plaintiffs “fully cooperated” with the USDA and “fully agreed with the goals of the END eradication program,” making their veterinarian available to the USDA and authorizing entry by USDA officials and related personnel onto their ranches. Id. ¶ 14.

2. Depopulation of Plaintiffs’ Flock and Destruction of Eggs

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Related

Cebe Farms, Inc. v. United States
116 Fed. Cl. 179 (Federal Claims, 2014)

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Bluebook (online)
103 Fed. Cl. 174, 2012 U.S. Claims LEXIS 37, 2012 WL 286874, Counsel Stack Legal Research, https://law.counselstack.com/opinion/cebe-farms-ind-v-united-states-uscfc-2012.